During investigation of complaints whether the Complaint require a Health Hazard Evaluation (HHE) to be evaluated and if not required, it should be sufficiently justified documented. Similarly the investigation procedure and checklist should also evaluate any market actions (Recall, Stop Distribution etc.) or regulatory actions (Field alerts) required, and if it is concluded as not required, it should be sufficiently justified. The investigation procedure and checklist should also review previous complaints of similar nature and effectiveness of corrective actions taken.
Health Hazard Evaluation (HHE) will typically consider Probability of Occurrence of defective product in a Lot, Chance that the Defective Product is undetected (Detectability) and Severity of exposure to the defective product and based on this calculation of a Health Hazard Index. Based on the Health Hazard Index different actions will be defined (No Action / Low level of Action such as a Response or a Technical Note with explanation or recommendations to customer(s) /Moderate level of action such as withdrawal from point of use, modified instructions for usage of product / High level of action such as Recall).
When the complaints are increasing and repeating, (though the Risk Assessment shows there is no risk to product quality and patient safety) further actions are necessary. This is why during investigations of Complaints (as well as any other Quality events), there should be a check for previous history of similar events and effectiveness of actions taken. If there is a Product issue, definitely market actions like recall / stop distribution should be considered; or else actions such as Recommendations / Advice to users, modification of usage instructions may be required. The objective should be to see that the complaints are progressively reduced / stopped. Merely a Risk assessment showing there is no product quality or safety issues alone is not sufficient.
When an investigation to a complaint identifies a root cause (such as issue with Vendor supplied material), the investigation should also extend to evaluate the potential impact – Eg: How many batches of the vendor supplied material are potentially impacted; in how many drug product batches this material is used. The list of impacted drug product batches should be identified, HHE performed and based on this actions including recall should be evaluated. The whole investigation, evaluation should be well documented and justified. If the evaluation concludes that no market actions are required, it should be well documented with sufficient justification.
There should be positive effort to complete the complaint investigation, response and closure within the defined timelines in SOP; But in spite of best efforts and due to nature of complaints, it is some times possible that the Complaints are not closed within these timelines. It could be due to several reasons – lack of further information from market / customer, identification of exact root cause, closure of corrective actions or mitigation actions (such as Recall, Changing Usage instructions of product etc.). But there should be a system and procedure to track such overdue Complaints, review the status of investigation and actions and redefine the time lines for closure with sufficient justification. Typically such extensions should go for a higher level of review and authorization, which will help ensuring that sufficient resources and support is provided for investigation and closure of complaint. At times the closure of Complaint is pending for lack of Customer / User response, even after a Firm has taken all actions as identified in the investigation and CAPA. In such cases there should be a procedure defined to close the complaint after affirmative communication to complainant / user on status of complaint and the Firms conclusion to close the complaint.
Effective Management review with defined agenda items which include – Review of Complaints and other Quality events, Trends, Closure status. The Management Review should identify additional actions for remediation and closure of open issues, where required and follow up the same through subsequent reviews.
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